As a plan sponsor, you are required to provide certain disclosures (e.g., fee disclosure, summary plan description) to participants. The disclosures can be delivered in paper form — either by mailing a paper copy to each participant, or delivering them in-person at an employee’s worksite. (Simply posting a required disclosure in an employee common area is not acceptable).
Alternatively, disclosures can generally be delivered electronically. But sponsors must follow certain rules when using email to deliver documents that are required to be made available to plan participants under Title I of the Employee Retirement Income Security Act (ERISA), such as the SPD, fee disclosure, QDIA notice and summary annual report.
This guide is intended to provide an overview of relevant electronic delivery rules and assist plan sponsors who may be considering sending a notice or other disclosure via email.
Generally, yes, provided certain requirements are met. A common approach is to use work email to send disclosures to active employees, but send paper copies to other participants (e.g., terminated employees, beneficiaries).
If you want to email disclosures to participants other than active employees, such as retirees, the requirements become more complex. In addition to obtaining a personal email, you may need to get the individual’s consent or meet certain requirements, including providing an initial paper notification to individuals. These additional requirements also may apply if a current employee does not regularly use a work email as part of their job duties. See below for more information.
You can send disclosures to a current employee’s work email if they are “wired-at-work.” In general, that means they use a computer and their employer’s email system as a regular part of their job.
Employees who meet that definition are not required to give affirmative consent to receive disclosures via email. However, the employee must be notified, at the time the disclosure is emailed, of the importance of the document and their right to receive a paper copy.
Note: Employees considered “wired-at-work” typically work jobs requiring a desktop computer, laptop, or other electronic device that has access to their employer’s email system. Simply providing employees access to a computer (e.g. kiosks) is not sufficient.
For employees who don’t regularly use work email, as well as participants who aren’t current employees, you can still email disclosures provided certain conditions are met.
You can email disclosures to any participant with a valid email address. In addition to work email addresses, you can use personal emails, which can be collected from participants during the hiring or plan enrollment process.
Before sending disclosures via email, you must give individuals a paper notice disclosing that documents will be delivered electronically and identifying the email address that will be used. The notice must include:
When sending documents directly, the email must include:
Important considerations:
In addition to the methods described above, you can email disclosures to any participant if you first get their affirmative consent. Although the other methods do not require consent, plan sponsors who already have consent on file may want to continue relying on that consent for those participants.
Under this method, prior to obtaining a participant’s consent, you must communicate the following information to the individual:
No. You can use different delivery methods for different employees or for different documents. For example, you might choose to email disclosures directly to current employees’ work emails and mail paper copies to retired participants.
Note: Regardless of what method you use, you must ensure that you are alerted if an email is undeliverable. In that case, you must take reasonable steps to address the problem, like requesting a new email address or sending a paper copy.
For more information regarding the rules for delivering plan disclosures to participants, speak with your Retirement Plan Coordinator or call us at (877) 872-5159.
You can also use notice delivery services available in PlanPremier to have Capital Group deliver certain notices to plan participants. Learn ways to simplify your retirement plan notice process or contact your Retirement Plan Coordinator for more information.